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This article comments on the Supreme Court cases of 23 September 2005 in which it was decided that the tax authorities are not entitled to receive information on due diligence reports. In addition, the consequences of the case in particular with respect to a company take-over are described

This article comments on the Supreme Court cases of 23 September 2005 in which it was decided that the tax authorities are not entitled to receive information on due diligence reports. In addition, the consequences of the case in particular with respect to a company take-over are described